France - Tax credit: Reduction of the overall amount of tax credits in 2013

According to the Finance Law for 2013 (Loi de finances pour 2013, LF 2013), the cap for the overall amount of tax credits (under article 200-0 A of the French Tax Code) for 2013 is EUR 10.000. In 2012, the cap for the overall amount of tax credits was EUR 18.000 + 4% of the […]

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UK - Non-standard treaty tie-breaker rules for company residence - guidelines published

On 14 January 2013, HM Revenue & Customs (HMRC) published new section INTM120085 of the International Manual on company residence, providing clarification on non-standard treaty tie-breaker rules. According to certain double taxation agreements, e.g. Canada - United Kingdom Income Tax Treaty (1978), Netherlands - United Kingdom Income Tax Treaty (2008) and United Kingdom - United […]

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Russia - Ministry of Finance clarifies the tax treatment of assets received free of charge from independent parties

On 8 November 2012, the Ministry of Finance issued a letter No. 03-01-18/8-162 clarifying the tax treatment applicable to assets (works, services, or property rights) received free of charge in transactions between independent parties. The Ministry of Finance clarified that assets received free of charge from an independent entity should be reported by the beneficiary […]

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China - Expected changes in taxation of qualified foreign institutional investors

It has been reported that the China Securities Regulatory Commission (CSRC) and the State Administration of Taxation (SAT) have agreed on expanding the taxation of qualified foreign institutional investors (QFII) recently. Currently, QFIIs are subject to enterprise income tax at a rate of 10% on dividends, profits and interest and are exempt from capital gains […]

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UK - Settlement opportunity for participant in tax avoidance schemes

On 8 January 2013, HM Revenue & Customs (HMRC) announced that it will offer to individuals, companies and partnerships that have entered into specific tax avoidance schemes, the opportunity to finalize their tax position and settle their tax liabilities by agreement without recourse to litigation. The schemes covered include UK Generally Accepted Accounting Practice (GAAP) […]

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